United States Third Circuit
In re: Emoral , Inc., 13-1467
Personal injury causes of action arising from the alleged wrongful conduct of a debtor-corporation, asserted against a third-party non-debtor corporation on a "mere continuation" theory of successor liability under state law, are properly characterized as "generalized claims" constituting property of the bankruptcy estate.
Appellate Information
- Decided 01/24/2014
- Published 01/24/2014
Judges
- BARRY
Court
- United States Third Circuit